Case LawHigh Court › D.b. Civil Writ Petition v. Assistant Co...

D.b. Civil Writ Petition v. Assistant Commissioner Of Income Tax, Central Circle 4 Jaipur,Income Tax, New Central Revenue Building, Bhagwan Das Road,Jaipur, Rajasthan

High Court 16 Sep 2025 In favour of: Revenue
Forum / Bench
High Court · jaipur
Parties
D.b. Civil Writ Petition v. Assistant Commissioner Of Income Tax, Central Circle 4 Jaipur,Income Tax, New Central Revenue Building, Bhagwan Das Road,Jaipur, Rajasthan
Date of order
16 Sep 2025
Assessment year(s)
Outcome
Dismissed

The order — as passed by the High Court

Case summary

In D.b. Civil Writ Petition v. Assistant Commissioner Of Income Tax, Central Circle 4 Jaipur,Income Tax, New Central Revenue Building, Bhagwan Das Road,Jaipur, Rajasthan, the High Court (2025) dismissed the appeal under Section 148, Section 153 of the Income-tax Act. The decision went in favour of the Revenue.

Summary auto-generated from the order below — read the full judgment for the complete reasoning.

Sections referenced in this judgment

[2025:RJ-JP:37762-DB] HIGH COURT OF JUDICATURE FOR RAJASTHAN BENCH AT JAIPUR D.B. Civil Writ Petition No. 12467/2025 Mahendra Verma S/o Late Kanhaiyalal Verma, Aged About 73Years, R/o A-207-208, Nagar Residency, Near Rungta Hospital,Malviya Nagar, Jaipur 302017, Through Power Of Attorney HolderVinod Bamalwa, Son Of Late Madan Lal Bamalwa, Aged About 51Years, Residing At 9/1 Lower Rawdon Street, L.R. Sarani S.O.Kolkata West Bengal 700020. ----Petitioner Versus Assistant Commissioner Of Income Tax, Central Circle 4 Jaipur,Income Tax, New Central Revenue Building, Bhagwan Das Road,Jaipur, Rajasthan 302005 ----Respondent For Petitioner(s) : Mr. Sanjay Jhanwar, Sr. Advocate assisted by Mr. Prakul Khurana andMr. Rajat Sharma For Respondent(s): Mr. Siddharth Bapna withMr. Meyhul Mittal HON'BLE MR. JUSTICE SANJEEV PRAKASH SHARMA HON'BLE MR. JUSTICE SANJEET PUROHIT 16/09/2025 Order 1.The challenge is to the notice issued under Section 153(C) ofthe Income Tax Act, 1961 dated 16.01.2025 for the AssessmentYear 2013-2014 and the disposal of the objections againstreassessment proceedings order dated 14.07.2025. 2.Learned Senior Counsel appearing for the petitioner hasvehemently argued that the notice was not maintainable againstthe petitioner under Section 153(C) and twin satisfaction of theAO were not recorded. He has also raised other ancillaryarguments. We notice that the petitioner had earlier preferred a writ petition No.2386/2022, wherein he challenged theproceedings initiated under Section 148 against the argumentadvanced that the proceedings should have been initiated underSection 153(C). Accordingly, this Court quashed the proceedingsinitiated under Section 148 of the Income Tax Act vide judgmentdated 19.03.2024 with liberty to the authorities to proceed againstthe writ petitioner in accordance with law. Since, the Courtgranted permission to the respondent- Tax Authorities to proceed,the challenge on the ground of limitation would not arise, now asit was at the instance of the petitioner that the order was passedby this Court granting liberty to the authorities to proceed. 3.In view thereto, the proceedings initiated against thepetitioner under Section 153(C) cannot be objected, the objectionshave been rightly rejected by the authorities. 4.We, therefore, do not find any reason to interfere with thenotice issued under Section 153(C), however, the petitioner is freeto take up all the necessary arguments and defence available tohim before the authorities who would of course pass anappropriate speaking order. 5.With the aforesaid observations, the writ petition isdismissed. Pending appreciation(s), if any, also stands disposed of. (SANJEET PUROHIT),J (SANJEEV PRAKASH SHARMA),J GAURAV/AVINASH/20
Facing a similar income-tax issue?
Our CA-led litigation team handles notices, scrutiny, penalties and appeals (CIT(A) & ITAT) end-to-end.
✅ Defend a reassessment (Sec 148) notice → 💬 Ask our CA
This page reproduces a public-domain court order (Section 52(1)(q)(iv), Copyright Act 1957). Explanations are EaseValue's original analysis. Always read the original order.
Disclaimer: General information only — not legal, tax or professional advice, and no advocate/CA–client relationship is created. AI-generated summaries may contain errors and must be verified against the original court order. EaseValue accepts no liability for reliance on this content. Not a solicitation. Full disclaimer & Terms.
Contact Careers Media / Press · Privacy Terms Refund Cancellation Cookies Disclaimer
© 2026 EaseValue Advisors LLP · LLPIN ACN-4920 · Jaipur, Rajasthan